Software Research, Inc. v. Uptrends LLC et al
Filing
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STIPULATION AND ORDER OF DISMISSAL re 16 Stipulation filed by Software Research, Inc.. Signed by Judge Edward M. Chen on 12/30/15. (bpf, COURT STAFF) (Filed on 12/30/2015)
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SINGER / BEA LLP
Benjamin L. Singer (Bar No. 264295)
bsinger@coltsinger.com
Douglas S. Tilley (Bar No. 265997)
dtilley@coltsinger.com
601 Montgomery Street, Suite 1950
San Francisco, California 94111
Telephone:
(415) 500-6080
Facsimile:
(415) 500-6080
Attorneys for Plaintiff Software Research, Inc.
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K&L GATES LLP
Michael E. Zeliger (Bar No. 271118)
michael.zeliger@klgates.com
Christopher Centurelli (not admitted)
christopher.centurelli@klgates.com
V. Raman Bharatula (not admitted)
raman.bharatula@klgates.com
630 Hansen Way
Palo Alto, California 94304
Telephone: (650) 798-6700
Facsimile: (650) 798-6701
Attorneys for Defendant Uptrends LLC
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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SAN FRANCISCO DIVISION
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SOFTWARE RESEARCH, INC.,
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Plaintiff,
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v.
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UPTRENDS LLC, and DOES 1 through 10,
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CASE NO. 3:15-CV-04374-EMC
Defendants.
CORRECTED STIPULATION FOR
ENTRY OF DISMISSAL WITH
PREJUDICE PURSUANT TO FEDERAL
RULE OF CIVIL PROCEDURE
41(a)(1)(A)(ii)
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CORRECTED STIPULATION FOR ENTRY OF DISMISSAL WITH PREJUDICE PURSUANT TO FEDERAL RULE OF CIVIL PROCEDURE
41(A)(1)(A)(II)
CASE NO. 3:15-CV-04374-EMC
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Plaintiff Software Research, Inc. (“Plaintiff”) and Defendant Uptrends, LLC (“Defendant”)
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(collectively, the “Parties”) have settled all claims in this action, including an agreement that each
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side will bear its own costs and fees. Plaintiff filed its Complaint on September 23, 2015, and served
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the same upon Defendant on September 28, 2015. (See Dkt. Nos. 1, 10.) Defendant appeared on
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December 3, 2015, by way of its Answer to Plaintiff’s Complaint. (See Dkt. No. 13.) In light of the
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their settlement, the Parties hereby stipulate, pursuant to Federal Rule of Civil Procedure
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41(a)(1)(A)(ii), that this lawsuit be dismissed with prejudice, with each side to bear its own costs and
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fees.
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This Corrected Stipulation is identical in all respects to the original version submitted by the
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Parties (see Dkt. No. 15), except that the Civil Local Rule 5-1(i)(3) attestation has been corrected to
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reflect the signature of the attesting attorney.
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Date: December 23, 2015
Respectfully submitted,
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SINGER / BEA LLP
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By:_/s/ Benjamin Singer
Benjamin L. Singer
Doug Tilley
Attorneys for Software Research, Inc.
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UNIT
ED
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N
F
D IS T IC T O
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By:_/s/ Christopher Centurelli_
Michael Zeliger
Christopher Centurelli
V. Raman Bharatula
Attorneys for Uptrends LLC
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K&L GATES LLP
LI
RT
ER
FO
NO
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en
. Ch
ward M
Judge Ed
A
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R NIA
RT
U
O
IT IS SO ORDERED:
S DISTRICT
__________________________
TE
C
TA
Edward M. Chen
ED
ORDER
IT IS SO
U.S. District Judge
S
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ATTESTATION
I, Doug Tilley, am the ECF user whose ECF credentials will be used to file this Stipulation.
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Under Civil Local Rule 5-1(i)(3), I hereby attest that Benjamin Singer, lead counsel for Plaintiff
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Software Research, Inc., and Christopher Centurelli, counsel for Defendant Uptrends LLC, have
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concurred in the filing of this Stipulation.
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__/s/ Doug Tilley
Doug Tilley
-1CORRECTED STIPULATION FOR ENTRY OF DISMISSAL WITH PREJUDICE PURSUANT TO FEDERAL RULE OF CIVIL PROCEDURE
41(A)(1)(A)(II)
CASE NO. 3:15-CV-04374-EMC
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